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U.S. Taxes Non-U.S. Corporation on Gross U.S. Business Income

The U.S. Tax Court issued an important decision in Adams Challenge (U.K.) Limited v. Commissioner (“Adams Challenge”) in January of 2021 that will have implications for Canadians conducting business in the U.S. This case adds an important insight regarding the scope of the non-discrimination provisions included in most U.S. tax treaties. The case provides a […]

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ICYMI – U.S. Election 2020: Tax Implications for Canadians

December 4, 2020

If you were unable to join us on Nov 17 for our inaugural Tax Talk webinar on Zoom, you can now watch our virtual briefing on the Andersen in Canada YouTube channel here:  https://youtu.be/4fJBQW2Hy2U  Thank you to all the attendees for joining us and providing some great questions. We have plans to follow up on […]

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U.S. Election 2020: Tax Implications for Canadians

November 9, 2020

Join Andersen Partners Warren Dueck and Steven Flynn for a Zoom virtual briefing on what’s ahead for Canadians with cross-border investments and activities. Warren and Steven will be discussing the topics outlined in our previous post Top 5 Tax Issues for Canadians with a Biden Presidency. There will be opportunities to ask questions at the […]

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The IRS issues long-awaited good news for US persons regarding reporting and filing requirements for Canadian tax-favored foreign trusts

March 4, 2020
ALERT: IRS Revenue Procedure 2020-17, issued March 2, 2020, provides guidance and relief for eligible US persons regarding tax-favoured (Canadian) foreign trusts including RESPs and RDSPs.
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